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Children and Vulnerable Adults Safeguarding Policy Policy Reference Number: CAVAS/V2.1
Version Control
1. Contents
1 Contents 2 Statement of Policy
3 Application 4 Procedure
5 Roles and Responsibilities 6 Context
7 Further Information and Guidance 8 Policy Ownership and Status
Appendix A – Code of Practice
Appendix B – Responding to Allegations of Abuse
2. Statement of Policy
This document states the University's policy on preventing and reducing harm to
children and vulnerable adults when they are in contact with University staff, workers,
volunteers or students. The policy aims to:
Promote and prioritise the safety and wellbeing of children and vulnerable adults;
Provide assurance to parents, carers and other parties that the University takes
reasonable steps to manage risks and keep children and vulnerable adults safe;
Ensure that everyone understands their roles and responsibilities in respect of
safeguarding and is provided with the necessary information, training and support
on safeguarding matters;
Prevent the employment of individuals in work with children and/or vulnerable
adults where they have been barred by the DBS or are deemed by the University
to pose an unacceptable risk to vulnerable groups;
Ensure that appropriate action is taken in the event of any allegations or
suspicions regarding harm to children or vulnerable adults arising from contact
Version Summary of amendment Date
2.0 Re-draft of original policy to take account of new legislation and procedures
28 July 2014
2.1 Clarification of the intended and pre-existing University definition of a vulnerable adult and requirements for risk assessments.
28 August 2014
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with University staff, students or volunteers, whether the harm has taken place
on University premises or not.
The Children and Vulnerable Adults Safeguarding Policy also seeks to manage
effectively the risks associated with activities and events involving children and
vulnerable adults through departments/institutions:
Completing a risk assessment process which involves identifying risks and
means of reducing or eliminating these;
Implementing the required actions identified by the risk assessment process and
reviewing the effectiveness of these on a regular basis;
Ensuring that the appropriate DBS or basic disclosure checks are conducted,
depending on eligibility, for any individuals starting or moving into work which
involves working with children or vulnerable adults;
Requiring new employees and individuals involved in working with children or
vulnerable adults to familiarise themselves with the content of this policy and the
associated Code of Practice.
This policy requires that any suspicions and allegations involving harm to children
and vulnerable adults are referred to Human Resources Business Managers to
determine what action, if any, must be taken. This will enable each situation to be
investigated thoroughly, whilst treating the parties involved fairly and with sensitivity.
It will also ensure that suitable steps are taken as a result of any investigations,
which may include contacting the police and/or fulfilling the legal duty to refer
information to the DBS as required.
The procedure for managing suspicions and allegations aims to strike a balance
between the need to protect children and vulnerable adults from abuse and the need
to protect staff, students and volunteers from false or unfounded accusations.
The Children and Vulnerable Adult Safeguarding Policy should be used as the basis
of each department/institution’s approach to preventing and reducing harm to
children and vulnerable adults. However, departments/institutions are encouraged to
develop their own local policies and procedures to address any safeguarding matters
of particular relevance to them.
3. Application and definitions
3.1 Application
The key parts of the Children and Vulnerable Adults Safeguarding Policy apply as
described below. Please note that the policy does not apply to the Colleges, which
are separate legal entities and have their own internal policies and procedures.
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Risk assessment process
- Recruitment to a new or existing post which involves working directly
with children and/or vulnerable adults1;
- The commencement of new activities or events involving or potentially
involving children and or vulnerable adults; and
- Changes being made to activities or events involving or potentially
involving children and or vulnerable adults.
Screening check processes
These apply to those carrying out work for the University which involves direct
contact with children and/or vulnerable adults1 and meets the eligibility criteria
for a basic disclosure or Disclosure and Barring Service check.
Procedure for dealing with reported suspicions and allegations
This applies to all University of Cambridge members of staff, workers,
volunteers, visitors and students made aware of, or involved in, an allegation
or suspicion involving harm to children and/or vulnerable adults.
Appendix B Code of Practice
This applies to all University of Cambridge members of staff, workers,
volunteers, visitors and students who come into direct contact with children
and vulnerable adults.
3.2 Definitions
A child is any person under the age of 18.
Adults aged 18 and over have the potential to be vulnerable (either temporarily or
permanently) for a variety of reasons and in different situations. An adult may be
vulnerable if he/she:
Has a learning or physical disability; or
Has a physical or mental illness, chronic or otherwise, including an addiction to
alcohol or drugs; or
Has a reduction in physical or mental capacity; or
Is in the receipt of any form of healthcare; or
Is detained in custody; or
Is receiving community services because of age, health or disability; or
Is living in sheltered or residential care home; or
Is unable, for any other reason, to protect himself/herself against significant harm
or exploitation.
It is recognised that people who meet one or more of the criteria above may not be
vulnerable at all, or all of the time. However, until a department/institution has direct
contact with people on an individual basis, it may be impossible to identify whether
vulnerability exists in relation to an activity or event involving adults that they are
planning.
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Therefore, in order to support departments/institutions in identifying and managing
potential risks of harm to people effectively, and for the purposes of this policy only, a
vulnerable adult1 should be identified (for the purposes of this policy only) as a
person aged 18 or over who meets one or more of the criteria listed above.
4.3 Examples of University activities involving children and vulnerable
adults
University staff or students may encounter children and vulnerable adults1 in a wide
range of situations. These include, but are not limited to, the following:
The provision of healthcare or health services;
Children’s activities in the Physical Education Department;
Certain first degrees, master’s degrees and PhDs (for example, in the fields of
education, medicine and veterinary science);
Research work, which involves direct physical contact with children and/or
vulnerable adults;
Work experience students under 18;
Widening participation outreach activities with schools and colleges (in
Cambridge and external);
Student Community Action
Cambridge Science Festival (Science week);
Childcare provision in the University’s nurseries and playschemes;
School and nursery visits;
Community sports projects;
Photography of children for publication;
First aid delivery;
Christmas parties for children;
Museum sleepovers;
Festival of Ideas;
Teaching undergraduates who are under 18;
Open days;
Working with disabled students.
4. Procedure
4.1 Raising awareness of the policy
Departments/institutions must ensure that all new members of staff are made aware
of this policy and that they are given time to read it during their induction period. This
1 Please note: this policy’s definition of a vulnerable adult does not apply to University
employees/workers (except in situations where they receive healthcare from another member of the University). Reasonable adjustments for disabilities and any capability/capacity matters in the workplace are managed outside of this policy. Please contact your HR Business Manager/Adviser for further advice as required.
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requirement is included in the Induction Planning Checklist (HR22) and the Induction
Checklist (HR24).
Training is available upon request from the Safety Office on conducting risk
assessments in relation to working with children and vulnerable adults.
4.2 Initiating the Risk Assessment Process
Organisations are required under health and safety legislation to protect people as
far as is ‘reasonably practicable’. In particular, the Management of Health and Safety
at Work Regulations 1999 require organisations to assess the risks in their
workplaces and to put plans in place to control the risks.
The Children and Vulnerable Adults Risk Assessment process will be initiated by the
following circumstances (although other situations may trigger this procedure if
deemed appropriate by the department/institution):
Recruitment to a new or existing post which involves working with children
and/or vulnerable adults;
The commencement of new activities or events involving or potentially
involving children and or vulnerable adults;
Changes being made to activities or events involving or potentially involving
children and or vulnerable adults.
Please note that where there are multiple posts, activities or events of a similar
nature, it is unnecessary to complete an individual risk assessment for each of them.
Instead, it is possible to complete an overarching assessment for a particular type of
post, activity or event and ensure that it manages the relevant risks appropriately.
Once it has been identified that the risk assessment process should be initiated, it is
vital that the person responsible for the relevant recruitment campaign, activity or
event includes completion of this within his/her planning process and ensures that it
is completed.
4.3 Completing the Risk Assessment Process
A risk assessment must be completed in advance of the relevant recruitment
campaign, activity or event by a competent person (where there are not current,
adequate and documented risk management procedures already in place). The
HR33 Children and Vulnerable Adults Risk Assessment form is provided to assist
with this process. Risk assessments must be completed by a competent person; that
is, is someone who understands the job, activity or event and is aware of the
hazards. It is important to note that the University’s insurance may be invalid if a
claim is made and no risk assessment is in place.
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The purpose of the risk assessment is to enable the responsible person to identify,
mitigate and remove any potential risks relating to contact with children or vulnerable
adults. This can also be a prompt to consider alternative working practices, such as
minimising occasions where an individual is alone with a child or vulnerable adult and
considering whether the activity could be supervised or observed by others.
Any actions identified as a result of completing the risk assessment must be
completed within the timescales specified on the form.
The risk assessment should:
Identify the nature, length and frequency of the contact and if it would be
supervised or unsupervised;
Consider if there will be children and adults who are particularly at risk;
Consider whether any children or vulnerable adults have allergies, are on
medication, have any disabilities (physical or mental), or any behavioural
difficulties;
Identify any potential areas for harm;
Evaluate the risks;
Determine actions to prevent harm occurring, which might include consideration
of alternative working practices, and prompt individuals to ensure that they are
implemented;
Identify those situations that would require a DBS check or a basic disclosure
check.
Completed risk assessments should be retained by departments/institutions whilst
and activity/event is ongoing and for five years after it has ceased (or the risk
assessment has been superseded). Where an activity is ongoing but unchanged,
departments/institutions should review the risk assessment on a regular basis to
ensure that the measures put in place are still relevant and appropriate.
It is important for departments/institutions to remember to complete a risk
assessment prior to any work experience placement being provided. The Temporary
Employment Service (TES) provides advice and support for departments/institutions
on the arrangement of work experience, including for children, to ensure that
appropriate arrangements are in place and that there is compliance with relevant
legislation. Further details are available on the TES work experience web pages.
4.4 Identifying required checks
Once the key duties and responsibilities of the activity are determined, one of the
required actions must be to identify which checks, if any, are required prior to the
individual working with children and/or vulnerable adults.
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In addition, the department/institution must consider if any required checks should be
treated as essential before employment (that is, that the new employee recruited to
the role should not be able to start work until the check is completed). Detailed
guidance on when a check should be treated as essential or non-essential for
completion before an individual starts work is found in the Identify screening checks
section of the Recruitment Guidance (http://www.admin.cam.ac.uk/cam-
only/offices/hr/recruitment/vacancy/checks.html).
4.4.1 DBS checks
The University is a registered body with the DBS. Registered bodies are entitled in
law to apply for a DBS check only where the position is included in the DBS's list of
eligible posts. These posts represent the professions, offices, employments, work
and occupations that are known as the exceptions to the Rehabilitation of Offenders
Act 1974.
There are two types of check available from the DBS:
Standard - contains details of all spent and unspent convictions, cautions,
reprimands and warnings held on the Police National Computer (PNC) that
are not ‘protected’. Protected convictions and cautions are normally old and
minor; they are filtered by the DBS so they are not disclosed and they must
not be taken into account by employers. The filtering rules and the list of
offences that will never be filtered are now available for you to view on the
DBS's web pages.
Enhanced - contains the same information as the standard check but also
any relevant and proportionate information held by the local police forces. In
addition, where the role is eligible, registered bodies can request a check on
whether a person is barred from working with children or adults in regulated
activity (particular types of work with children and adults).
Many roles in the University which involve working directly with children and
vulnerable adults fall into the category of ‘regulated activity’ and so are eligible in law
for an enhanced DBS check with appropriate barred list check. The most common
regulated activities which take place in the University are:
Teaching, training, instructing, supervising children whilst unsupervised at
least once a week or more or on four days or more in a thirty day period; and
Health care provided by, or under the direction or supervision of a regulated health care professional (please note that this only needs to be on one occasion).
It should be noted that teaching, training, instructing, caring for or supervising a 16 or 17 year-old's employment (which includes work experience) is not regulated activity and a DBS check may not be requested. A DBS check may only be required for work experience students under 16 in the rare event that the same person is teaching, training, instructing, caring for or supervising them whilst unsupervised on a frequent/intensive basis.
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Where an individual is not working in regulated activity, he/she will be eligible for a standard DBS check where his/her work is:
Concerned with the provision of health services;
Of a kind as to enable the individual concerned to have direct, physical contact (such as interviews or focus groups) with persons in receipt of such services in the course of his/her normal duties.
Full details of the type of work and roles which are eligible for DBS checks are found
in the DBS section of the Recruitment Guidance. An appropriate individual within the
department/institution (for example, the line manager/supervisor for the role or the
person providing administrative support to the recruitment process) should review
this eligibility criteria at the start of the recruitment process, or as soon as the duties
of a role change, to identify whether a DBS check is required and, if it is, which type.
The appropriate individual should also determine whether the check must be
completed before an individual can start work or if there are activities that the
individual could reasonably and safely carry out before the check result has been
received. Guidance on whether a check can be treated as ‘essential before start’ or
not is found in the Identifying required screening checks section of the Recruitment
Guidance.
The HR Division’s DBS web pages also set out the procedure for requesting a DBS
check for new and current employees, receiving and recording check results, and
how departments/institutions may (where it is appropriate) complete a risk
assessment in order to allow individuals to start work where their DBS check is being
treated as ‘non-essential before start’ .
Appropriate control measures must be set out in the risk assessment and
implemented in order to minimise any risk arising from the DBS check not having
been completed when the individual begins work. Examples of control measures
include not allowing the individual to commence any work relating to the DBS check
until it has been completed or ensuring that he/she is supervised at all times.
Please note that DBS checks for students are managed by the Student Registry.
Their process is set out in the DBS section of the Student Registry web pages.
4.4.2 Basic Disclosures
Disclosure Scotland is the Scottish equivalent of the DBS and its services can be
used by employers throughout the UK. It differs from the DBS in that it offers basic
level criminal records checks (known as basic disclosures), which only reveal
convictions which are unspent under the Rehabilitation of Offenders Act 1974 are
revealed. This means that, unlike DBS checks, eligibility for basic disclosures is not
restricted in law. Employers may choose to require basic disclosures as they deem
reasonable for certain work.
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As set out in the Screening Policy, the University requests basic disclosures for roles
where the nature of the work means that the University believes that it is reasonable
and proportionate to obtain information about a prospective employee’s unspent
criminal convictions (or those of a current employee moving role) in order to manage
risk, including to people. In the circumstances where an individual will have direct
contact with children or vulnerable adults as a central part of their role, but where
they are ineligible for a DBS check, they may be eligible for a basic disclosure.
At the start of the recruitment process or planning for an activity/event, and as part of the risk assessment process described in section 5.3, the department/institution will need to assess for such roles (with support from the HR Division):
The nature of the contact with children/vulnerable adults;
The level of risk arising from the duties/responsibilities of the role;
Whether a basic disclosure would be relevant to managing that risk; If there are more effective alternative means of managing the risk.
An appropriate individual in the department/institution will need to determine whether
the check must be completed before an individual can start work or if there are
activities that the individual could reasonably and safely carry out before the check
result has been received. Guidance on whether a check can be treated as ‘essential
before start’ or not is found in the Identify required screening checks section of the
Recruitment Guidance.
The HR Division’s basic disclosure web pages also set out the procedure for
requesting a basic disclosure, receiving and recording check results, and how
departments/institutions may (where it is appropriate) complete a risk assessment in
order to allow individuals to start work where their basic disclosure is being treated as
‘non-essential before start’.
Appropriate control measures must be set out in the risk assessment and
implemented in order to minimise any risk arising from the basic disclosure not
having been completed when the individual begins work. Examples of control
measures include not allowing the individual to commence any work relating to the
basic disclosure until it has been completed or ensuring that he/she is supervised at
all times.
The department/institution is responsible for asking the preferred candidate to
complete the basic disclosure application form (which are available from the HR
Compliance Team upon request) and ensuring that it has been filled in correctly.
4.4.3 Portability
Where an individual has previously undergone a DBS check or basic disclosure
required for his/her post with another organisation in the course of his/her
employment, this check is not portable to the University of Cambridge. It will not be
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accepted as meeting the University's requirement for a post-holder to undergo a
particular type of DBS check or basic disclosure.
Exceptions to this are as follows:
Where an individual has subscribed to the DBS Update Service – this means
that their DBS check will be kept up-to-date and they can take this with them
from role to role, where the same level and type of check is needed. With an
individual's permission, the University will be able to go online to do a free,
instant check (known as a status check) to confirm that their DBS Certificate
is still up-to-date.
Where a DBS check or basic disclosure has been carried out within the last
12 months by the University (or an organisation acting on behalf of the
University) for a post with comparable duties - individual cases will need to be
discussed with the Head of Recruitment and his/her agreement provided that
another check is not required.
4.5 Disclosure of a criminal record
Where a criminal conviction is disclosed by an applicant or through a DBS
check/basic disclosure, the Head of Recruitment (or nominated deputy) will work with
the department/institution (where appropriate) to complete the HR20 Objective
Assessment for Disclosure of a Criminal Conviction Form. This contains details of the
check result, the individual’s explanation and an assessment of the level of risk.
The Director or Assistant Director of HR will consider this assessment objectively
and, where the assessment indicates that the level of risk is too high to allow the
individual to start/continue working in a particular role/activity, the consequences of
this for the individual will dependent upon:
The check concerned;
The reason for the check (that is, check for a new employee, a recheck for an
existing employee in their current post or a check for an existing employee in
a new post);
Relevant legislation;
The post concerned;
Whether the individual is suitable for other employment opportunities
available within the University.
Where appropriate, the head of the department/institution will be involved in the
decision process. Possible outcomes include amended duties, redeployment,
withdrawal of an offer of employment or, where the individual started work before the
relevant screening check was completed, dismissal.
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4.6 Recruitment of ex-offenders
The University of Cambridge has a published policy statement on the Recruitment of
Ex-offenders. The University welcomes applications from a wide range of candidates,
including those with criminal records. Having a criminal record will not necessarily bar
an individual from working at the University. This will depend on the nature of the
position and the circumstances and background of the offence.
The University of Cambridge complies fully with the DBS Code of Practice and
undertakes to treat all applicants for positions fairly. It undertakes not to discriminate
unfairly against any subject of a disclosure because of a conviction or other
information revealed.
4.7 Dealing with reported suspicions and allegations
Concerns for the safety and wellbeing of children and vulnerable adults could arise in
a variety of ways and in a range of situations. For example, a child/vulnerable adult
may report or show signs of abuse, someone may hint that a child/vulnerable adult is
at risk or that a colleague is an abuser, or someone may witness abuse.
According to the Department for Education and Skills, there are five main types of
abuse, which are outlined in Appendix A. It is not always easy to recognise a
situation where abuse may occur or has taken place and University employees are
not experts at such recognition. However, each person has a responsibility to act if
they have any concerns about someone’s behaviour towards a child or vulnerable
adult. It is important that the recipient of any complaint or accusation that a child or
vulnerable adult has been or is being abused listens carefully without making or
implying any judgment as to the truth of the complaint or accusation.
To ensure that all of the details of an allegation are captured for any future
investigation, a detailed record should always be made at the time of the matter
being raised. The HR34 Incident Report form is provided for this purpose.
It is impossible to promise complete confidentiality when a concern is raised or an
accusation made. This is because the University owes a duty of care to its staff,
students or visitors that cannot be fulfilled unless the University takes action on the
basis of information that may have been provided in confidence. The duty of
confidentiality must be weighed against the duty of care, in case of potential or actual
harm of an individual. However, at all stages, only those people who need to be
made aware of an incident or concern, whether internal or external to the University,
should be informed.
Where an individual suspects or is informed that a child or vulnerable adult has been,
is being or could be harmed as a result of taking place in a University activity/event or
through contact with University staff, volunteers or students, it is not the responsibility
of that person to decide whether abuse has taken place. Instead, the individual
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aware of these suspicions or allegations must contact the relevant school/institution’s
HR Business Manager/Adviser immediately for guidance and assistance on the
action that must be taken. If circumstances make this impossible, the Assistant
Director or Director of Human Resources must be contacted. In cases that involve
students, the Head of Student Registry must be contacted immediately. Staff who are
worried about sharing concerns about abuse are encouraged to speak with an
appropriate agency for further advice (for example, the NSPCC Child Protection
Helpline on 0808 800 5000 or Childline on 0800 1111).
Where a complaint of abuse is reported, the relevant manager/adviser will carefully
consider the information available and decide on the appropriate course of action.
Such situations may require contact with the relevant external agencies (including
social services and the police) for them to investigate the matter and determine any
necessary action. Consideration will also be given to whether it is necessary to notify
the relevant head of department/institution and take further action through the
relevant internal procedures. This may include invoking the University’s employee
disciplinary procedures, or in the case of students, the student disciplinary
procedures.
In emergency circumstances (for example, where there is certain immediate and
significant danger to an individual or a criminal act has been witnessed), University
staff should make referrals to the police, social services or other appropriate
authorities themselves prior to consulting with HR/the Student Registry. Where this is
necessary, HR should be informed immediately afterwards. In such cases, a criminal
investigation may follow.
The University has a legal duty to refer an individual to the DBS if they have been
removed from working in regulated activity with children and/or adults because they
caused harm to children/adults or posed a risk of causing harm. The duty to refer is
absolute and overrides any concerns about data protection.
All cases for possible referral must be raised with the relevant HR Business Manager
in the first instance as soon as harm or a risk of harm is identified. The HR Business
Manager and the department/institution should work together to complete the DBS
referral form found on the DBS’s web pages. They make seek advice from the Head
of Recruitment, who is the University's DBS check counter-signatory for employees.
The completed form must then be provided to the HR Director for review and a final
decision on whether the referral is required. Where it is deemed that a referral must
be made, the referral form must be forwarded to the Head of Recruitment to be
logged prior to be being sent to the DBS.
Any enquiries made by the media about possible allegations of abuse regarding
children/vulnerable adults should be referred to the Office of External Affairs and
Communications immediately.
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4.8 Data protection
The University complies with the principles of the Data Protection Act 1998 and
Human Rights Act 1998 in the way it collects, holds and disposes of personal
information.
In accordance with the University’s Master Records Retention Schedule:
Completed risk assessments relating to activities involving children/vulnerable
adults must be retained by departments/institutions whilst and activity/event is
ongoing and for a minimum of five years after it has ceased (or the risk
assessment has been superseded).
Details of relevant training (such as on safeguarding or working with children
or vulnerable adults) must be retained by departments/institutions (for local
training) or by the University training provider (for centrally delivered training)
for a minimum of five years after the training is completed.
Personal files of all employees (including those who have contact with
children/vulnerable adults) and any documentation related to allegations or
suspicions of abuse must be retained for a minimum of six years after the
individual concerned leaves the University.
In addition, departments/institutions should, wherever practicable, record lists of the
individuals (staff, students, volunteers and child/vulnerable adult participants)
involved in activities/events for children and/or vulnerable adults and retain them
securely for a minimum of six years after the activity/event.
The University has a published statement on confidential handling and storage of
criminal records information within the Data Protection section of the HR web pages.
Information about any allegations or suspicions of abuse must be shared on a need-
to-know basis only. Documentation related to allegations or suspicions of must be
stored in a secure place which is only accessible to those with appropriate
knowledge of the suspicions/allegations.
Where it is necessary for staff, students or volunteers to take photographs or video
images of children or vulnerable adults, written consent must be obtained (from
parents in the case of children) before these images are taken in order to comply with
the Data Protection Act 1998.
5. Roles and Responsibilities
The Director of HR is the University’s designated safeguarding person. As such,
he/she takes overall ownership of the policy and will promote the importance of
safeguarding within the University. Due to the size of the University, the day-to-day
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operation of the policy and its procedures will be the responsibility of other
individuals, as outlined below.
Each head of department/institution is accountable for the adoption and
implementation of this policy. They are required to promote the importance of
safeguarding within their department/institution and ensure that appropriate systems
in place for:
All their staff to become familiar with the Children and Vulnerable Adult
Safeguarding Policy during their induction;
Relevant staff to review the department/institution’s activities and follow the
Children and Vulnerable Adult Safeguarding risk assessment process.
It is the responsibility of the member of staff leading the recruitment campaign,
activity or event which involves working with Children and Vulnerable adults to:
Identify that the Children and Vulnerable Adults Safeguarding procedure is
applicable to a particular role, activity or event;
Ensure that staff, workers, volunteers and students working with children and
vulnerable adults are familiar with the contents of the policy and its application
before any new or changed activity/event;
Complete/update the risk assessment;
Ensure implementation and review of the actions identified by the risk
assessment;
Identify whether individuals recruited or involved in an activity or event require a
DBS check or basic disclosure and, where applicable, ensure that this is carried
out in accordance with HR/Student Registry procedures.
Staff, students and volunteers working with children and vulnerable adults within the
University should be familiar with this policy. In addition, they should, wherever
possible, conduct themselves in accordance with the Code of Practice set out in
Appendix B. This provides guidance on acceptable and desirable conduct to protect
both children and vulnerable adults who come onto University premises to study and
to visit, and those working with them.
Every individual who becomes aware of any suspicions or allegations regarding harm
to children or vulnerable adults is required to report this immediately to his/her
school/institution’s HR Business Manager/Adviser or the Head of the Student
Registry.
HR Business Managers/Advisers or the Head of the Student Registry will be the
initial point of contact where any allegations of abuse against children and vulnerable
adults are raised. They will hold responsibility for:
Promoting the Children and Vulnerable Adult Safeguarding Policy in their
schools/institutions.
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Dealing with any reported suspicions and allegations of abuse of children or
vulnerable adults within the University.
Providing appropriate information when making referrals to external agencies
(such as Social Services or the Police) in all cases of suspected abuse of
children or vulnerable adults.
Ensuring that appropriate records are kept in relation to the reporting of
suspected abuse.
Working with the Assistant Director/Director of HR and relevant DBS counter-
signatory to determine whether a referral needs to be made to the DBS.
The Head of Recruitment and the Immigration and Compliance Manager in the HR
Division are responsible for promoting and providing day-to-day advice on the
Children and Vulnerable Adult Safeguarding Policy, both to the HR School Teams
and to departments/institutions. They are also responsible for leading the review and
update of the policy document on a periodic basis and for working with PPD and
Health and Safety to ensure that adequate training is available for staff on
safeguarding.
The Compliance Team within the Human Resources Division processes DBS and
basic disclosure checks for staff. The Academic Division manages DBS checks for
students.
The Temporary Employment Service provides advice and support for
departments/institutions on the arrangement of work experience, including for
children, to ensure that appropriate arrangements are in place and that there is
compliance with relevant legislation.
6. Context
The University has a duty, both in law and as a responsible organisation, to take
reasonable care of children and vulnerable adults coming onto its premises. The
University aims to adopt the highest possible standards and take all reasonable steps
in relation to the safety and welfare of children and vulnerable adults. The University
encounters children and vulnerable adults in a variety of settings, including through
its teaching and research activities, as well as through its outreach programmes.
Safeguarding in relation to children is defined by the Children Act 1989 and Joint
Chief Inspectors Report on Arrangements to Safeguard Children (2002) as requiring:
“Agencies [and organisations] work ing with children and young people to take all reasonable
measures to ensure that the risks of harm to the individual’s welfare are minimised; and
Where there are concerns about children and young people’s welfare, all agencies [and
organisations] take all appropriate actions to address those concerns, work ing to agreed local
policies and procedures, work ing in partnership with other local agencies’.
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The University is fully committed to meeting the requirements of safeguarding, as
defined above, both in relation to children and vulnerable adults, in order to ensure
that they are safeguarded whilst enjoying opportunities to develop their full potential.
This policy should be read in conjunction with the following Universities policies and
procedures:
Recruitment Guidance
Recruitment of Ex-offenders Policy Statement
Equal Opportunities Policy
Health and Safety Policy
Dignity@Work Policy
Screening Policy
Data Protection procedures
Disciplinary action, grievances and appeals procedure
The following legislation is relevant to this policy, either because it has influenced its
introduction and/or its content:
Health and Safety at Work Act 1974
Rehabilitation of Offenders Act 1974
Rehabilitation of Offenders Act 1974 (Exceptions) Order 1975
The Police Act 1997
Protection of Children Act 1999
Management of Health and Safety at Work Regulations 1999
The Human Rights Act 1998
Sexual Offences Act 2003
The Children Act 2004
Safeguarding Vulnerable Groups Act 2006
Equality Act 2010
Protection of Freedoms Act 2012
The Protection of Freedoms Act 2012 is of particular importance as all decisions
made to bar individuals from working with children or adults are now made by the
Disclosure and Barring Service (DBS) under this legislation.
7. Further information and guidance
There is a range of supporting information for this policy, both internal and external to
the University including:
The Screening Policy sets out the University’s approach to screening checks,
including DBS checks and basic disclosures for those working with children
and vulnerable adults.
The Identifying required screening checks section of the Recruitment
Guidance sets out how departments/institutions must ensure that required
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screening checks (including DBS checks) are correctly specified within role
descriptions and on CHRIS (HR and Payroll’s Information System).
The Make an offer and send rejection letters section of the Recruitment
Guidance provides a template conditional offer letter which must be used to
explain to a preferred candidate that their offer of employment is conditional
upon the satisfactory completion of screening checks (including DBS checks
and basic disclosures).
The Disclosure and Barring section of the Recruitment Guidance explains
eligibility for DBS checks, the process for requesting DBS checks for
new/current employees and how/when to make referrals to the DBS.
Information on obtaining DBS checks for students is found on the Student
Registry’s web pages, along with frequently asked questions for students
about the DBS check process. For DBS checks for students, please refer to
The Recruitment of Ex-offenders Policy Statement sets out the University’s
position on employing individuals with a criminal conviction.
The Senior Tutors’ web pages provide a range of relevant guidance, including
on supporting students with mental health problems.
The Undergraduate Admissions Handbook sets out the University’s policy on
the admission of children.
The University’s employee disciplinary procedures and student disciplinary
procedures may be relevant in cases of suspected or alleged abuse.
The Disability Resource Centre’s web pages have a series of pages related to
supporting students with a range of impairments.
Guidance on the operation of this policy can be sought from the Head of
Recruitment or Immigration and Compliance Manager in the HR Division and
from the Head of the Student Registry in the Academic Division.
Organisations such as the NSPCC and Safe Network have a range of useful
information on their web pages, including guidance on minimum levels of
supervision for children.
8. Policy Ownership and Status The Children and Vulnerable Adults Safeguarding Policy is owned by the HR Division. It will be periodically reviewed and updated by the HR Division, in consultation with the Academic Division, to ensure compliance with relevant legislation and internal change. The HR Division will ensure that each published version of this policy is archived, along with details of when it was in operation.
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Appendix A – Types of Abuse
The categories of abuse below are produced from external guidelines2. A person
may abuse or neglect a child/vulnerable adult by inflicting harm, or by failing to act to
prevent harm. There are four main forms of abuse, although there are variations
within these:
Physical Abuse
Deliberate physical harm to children and vulnerable adults or any other form of
harm which causes illness in a child or vulnerable person.
Sexual Abuse
Forcing or manipulating a child or vulnerable adult to take part in sexual
activities.
Neglect
This involves the persistent failure to meet a child or vulnerable adult’s basic
physical and/or psychological needs, likely to result in the serious impairment
of the child’ or vulnerable adult’s health or development.
Emotional Abuse
This involves the persistent emotional maltreatment of a child or vulnerable
adult such as to cause severe and persistent adverse effects on the child’s
emotional wellbeing and/or development.
2 The Department for Education and Skills guidance: “What to do if you’re worried a child is being
abused” (2006) https://www.gov.uk/government/uploads/system/uploads/attachment_data/file/190604/DFES-04320-2006-ChildAbuse.pdf
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Appendix B – Code of Practice When working with children and/or vulnerable adults, University staff, students and volunteers are expected to take account of the guidance below in the way that they conduct themselves.
Consider the wellbeing and safety of event participants in advance through
proper planning and development of safe methods of working/activities.
Wherever possible, work in an open environment with children where they can be
seen by others.
Avoid unnecessary physical contact.
Avoid taking a child or vulnerable adult alone in a car on journeys, however short.
Avoid taking a child or vulnerable adult to the toilet, unless another adult is
present or another adult is aware (this may include a parent, group leader or
other responsible person).
In a situation where you are alone with a child or vulnerable adult, make sure that
others can clearly observe you.
Set expectations of the standards of behaviour required from participants in an
activity/event and encourage them to accept responsibility for their own
performance and behaviour.
Ask participants in an activity/event to take reasonable steps to ensure their own
safety and that of others, and to report any inappropriate behaviour they
experience/witness or any concerns that they may have.
Avoid showing favouritism towards particular participants.
Report incidents of alleged abuse to the relevant HR Business Manager/Adviser,
and ensure that any allegations are recorded.
Report any concerns about poor practice to senior management in the relevant
department/institution or HR Business Manager/Adviser.
Report any accidents to the designated person in the department/institution for
recording and investigation where required.
Avoid personal relationships with a child or vulnerable adult.
It is not appropriate for staff to have a physically or emotionally intimate
relationship with a young person under the age of 18. Particular attention is
drawn to the provisions of the Sexual Offences Act 2003 which created a new
criminal offence of abuse of “a position of trust”.
Staff, students and volunteers should remember that inappropriate behaviour can
also occur over the telephone, email, social media or internet.
Only official University or department/institution social media should be used for
engaging with the wider community. Inappropriate or abusive comments should
be removed swiftly and abusive individuals blocked/reported to the social media
concerned. Facebook instant chat and other similar functions should not be used
to interact with children or vulnerable adults. Wherever possible, communication
should be only public pages and avoid colloquial language/abbreviations which
may be misinterpreted (e.g. LOL).
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Do not make suggestive or inappropriate remarks to or about a child or
vulnerable adult, even in fun, as this could be misinterpreted.
Participate in training available to you to support you in your work with children
and vulnerable adults.
First aid treatment should be given with more than one adult present unless a
delay would be life-threatening.
Do not take children or vulnerable adults to your home.
Maintain confidentiality about sensitive information.
Where it is necessary for staff, students or volunteers to take photographs or
video images of children or vulnerable adults, written consent must be obtained
(from parents/guardians in the case of children) before these images are taken in
order to comply with the Data Protection Act 1998. Personal details and photos
which clearly identify an individual must only be published where he/she (or
his/her parent/guardian) has given specific agreement. Subjects should be
suitably dressed in photographs (e.g. when taking place in a sporting activity).
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